NSP2 Conference - Complying with Financial Management...U.S. Department of Housing and Urban...
Transcript of NSP2 Conference - Complying with Financial Management...U.S. Department of Housing and Urban...
U.S. Department of Housing and Urban Development Neighborhood Stabilization Program 1
Neighborhood Stabilization Program 2 Conference
U.S. Department of Housing and Urban Development
Neighborhood Stabilization Program 2Neighborhood Stabilization Program 2
Complying with Financial Management
Arlington, VAJanuary 29, 2010
This Workshop Covers
1. Financial Management Standards
2. Federal Cost Principles
3. Audit Requirements
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4. Beyond grant basics…
1. Financial Management S d d
Neighborhood Stabilization Program 2Neighborhood Stabilization Program 2
gStandards
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This Session Covers
• Internal Controls
• Accounting System
• Cash Management
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First the Context
• All recipients of NSP2 grants must follow “Uniform Administrative Requirements”
• They set common rules or standards for running programs
Grant administration
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– Grant administration
– Financial management
• Issued in OMB Circulars and HUD regulations
Applicability
Area of Program Management
State and Local Governments
Not-for-Profits
Uniform Administrative Requirements
OMB Circular A-102
24 CFR Part 85
OMB Circular A-110
24 CFR Part 84
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Requirements
Cost PrinciplesOMB Circular A-87
(2 CFR Part 225)
OMB Circular A-122
(2 CFR Part 230)
Audits OMB Circular A-133 OMB Circular A-133
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Guidance on Financial Management
• Establish minimum standards for managing grants– Control and account for funds, property,
other assets (internal controls)
– Identify source and use of all Federal funds
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Identify source and use of all Federal funds (accounting system)
– Minimize time in transfer of funds between Federal government and grantee (cash management)
Internal Controls
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Internal Controls
Internal Controls
• Combination of polices, procedures, job responsibilities, personnel and records that create accountability
• Ensures funds are used and managed
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gproperly
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Example: Organization Chart
• Supervision of employees
• Lines of authority
• Communication
• Delineates responsibility,
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ProgramManager
Accountant Procurement
Administrator
Board ofDirectors
Accounting System
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Accounting System
Accounting System
• System of tracking sources and uses of funds or “fund accounting” -- method that groups resources into funds
• Ensures that program costs are
I d f i d
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– Incurred for proper period
– Actually paid
– Expended on eligible items
– Expended from appropriate grant
– Approved by appropriate officials
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• Accounting system should include
– Chart of accounts
– Cash receipts journal
Accounting System (cont’d)
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– Cash disbursements journal
– Payroll journal
– General ledger
Example: Fund Accounting
CDBG HOME ESGGeneral
Fund Fees Total
Revenue–Grants
–Appropriations
–Collections
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Total Revenue
Expenses–Projects/Activities
–Administration
Total Expenses
Excess Revenue
Cash Management
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Cash Management
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Cash Management
• Procedures to minimize the time between receipt and disbursement of funds required
• Ensure that grantee holds grant dollars
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g gfor least time period necessary
• Disaster Recovery Grant Reporting (DRGR) System critical!
What is DRGR?
• DRGR is an online computer system for HUD staff and grantees. Grantees can use DRGR to:
• Submit information on activities funded under Action Plans (APs) and Amendments
• Group and track activities by Projects
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• Group and track activities by Projects
• Create and approve vouchers to draw down funding for activities as needed
• Submit Quarterly Performance Reports (QPRs)
• HUD staff can review and comment on DRGR APs and QPRs
How Does Information Flow in DRGR?
Grant and Activity
Setup/Funding
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Activity Obligation & Drawdown
Reporting
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2 Federal Cost Principles
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2. Federal Cost Principles
This Session Covers
• Cost Allowability
• Cost Reasonableness
• Cost Allocation
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Related to Standards
• Cost principles referenced in Financial Management Standards
• Three components further explained in two separate OMB Circulars
C ll bili
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– Cost allowability
– Cost reasonableness
– Cost allocation
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Applicability
Area of Program Management
State and Local Governments
Not-for-Profits
Uniform Administrative Requirements
OMB Circular A-102
24 CFR Part 85
OMB Circular A-110
24 CFR Part 84
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Requirements
Cost PrinciplesOMB Circular A-87
(2 CFR Part 225)
OMB Circular A-122
(2 CFR Part 230)
Audits OMB Circular A-133 OMB Circular A-133
Determining Costs
• Costs are only eligible if they
– Are associated with an eligible client
– Pay for eligible activities
– Are delineated in grantee application
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– Have adequate source documentation
– Meet OMB standards for being
• Allowable
• Reasonable
• Allocable
Cost Allowability
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Cost Allowability
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Cost Allowability
• In general, cost must be
– Necessary and reasonable
– Allocable to program
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– Authorized or not prohibited
– Conform to rules and requirements
– Not charged to any other program
Cost Allowability (cont’d)
• Refer to list of allowed costs in applicable OMB Circular on Cost Principles (A-87 or A-122)
– Discusses what’s allowed and what’s not allowed
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allowed
– Specifies circumstances
– Offers examples
• For grantees, 43 selected items of cost
Example: Travel Costs
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Cost Reasonableness
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Cost Reasonableness
Cost Reasonableness
• Costs charged to Federal award must be necessary, reasonable and directly related to the grant
• Look at following
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– Whether cost is ordinary and necessary
– Market prices for comparable goods and services
– Benefit to individuals involved
Cost Reasonableness (cont’d)
• Significant deviations from established practices of grantee may present “unreasonable” cost
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Cost Allocation
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Cost Allocation
Cost Allocation
• A cost is allocable to HUD program if
– Treated consistently with other similar costs
– Incurred specifically for program
– Benefits program or can be distributed
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p gbased on a reasonable proportion
– Necessary to operations
Direct and Indirect Costs
• Direct costs can be identified with specific program or activity
• Indirect costs are incurred for common/joint purpose benefiting more
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/j p p gthan one program or activity
– Administrative salaries
– Accounting expenses
– Facility maintenance
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Pro-Rating Costs
• Required by HUD where full cost is not the actual cost for HUD’s piece
• Must always have source documentation
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3. Audit Standards
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Why Do We Need An Audit?
• Establishes proper stewardship
– Verifies internal controls
– Shows oversight
– Provides independent review and
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preporting
• Demonstrates accountability
• Universally accepted analytical tool
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Requirements
• Federal programs are subject to review or audit
• When spending $500,000 or more in Federal awards per year, specific rules
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• Grantees and subrecipients both must adhere to same OMB Circular
Applicability
Area of Program Management
State and Local Governments
Not-for-Profits
Uniform Administrative Requirements
OMB Circular A-102
24 CFR Part 85
OMB Circular A-110
24 CFR Part 84
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Requirements
Cost PrinciplesOMB Circular A-87
(2 CFR Part 225)
OMB Circular A-122
(2 CFR Part 230)
Audits OMB Circular A-133 OMB Circular A-133
Federal Awards
• Federal awards include
– Grants, loans and loan guarantees
– Direct assistance or appropriations
Property insurance or interest
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– Property insurance or interest subsidies
– Property, food commodities
– Cooperative agreements or contracts
– Other assistance
• But only counts if “expended”
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Single-Audit
• Most common type of audit
– Required if grantee or subrecipient receives Federal funds from more than one source
– Involves looking at all programs and financial statements
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statements
Program-Specific Audit
• Another type of audit
– Permitted if recipient or subrecipient receives Federal funds from only one source
– Involves only looking at that program
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Specific Standards
• Federal audits use Generally Accepted Government Auditing Standards (GAGAS)
– Financial information correctly presented
– Internal controls exercised regarding cash management payroll processing fixed assets
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management, payroll processing, fixed assets and reporting
– Activities in compliance with program requirements
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4 Beyond Grant Basics
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4. Beyond Grant Basics
• In addition to managing finances and documenting compliance, grantees expected to
– Analyze numbers (financial analysis)
Beyond Grant Basics
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– Make good deals (underwriting)
– Earn income (program income)
– Keep moving forward (timeliness)
Program Income
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Program Income
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Program Income
• Applicability of CDBG Requirements
• CDBG Definitions and Requirements
• How Program Income Applies to NSP Home Buyer Projects
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Buyer Projects
• Calculating Program Income on Rental Project
– Owned by Grantee or Subrecipient
– Owned by Private Developer
CDBG Definitions and Requirements
• CDBG Rules Imposed by Recovery Act 570.500(a)
• Program Income is Revenue Received by a Grantee or Subrecipient from:
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– Sale of Property
– Loan Repayments
– Rental Income
Program Income Rules
• Spend Cash On Hand First
• NSP Income Only for NSP Uses
• Income Not Counted Toward Obligation
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Program Income—Homebuyer
• Sales Revenue Received by Grantee or Subrecipient
• Debt Service Payments Made to Grantee or Subrecipient
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• Recaptured Funds
Program Income—Rental Properties
• When Owned by Grantee or Subrecipient:
– Gross rental income minus costs incidental to its generation. Such costs include:
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• Management expenses
• Property maintenance and repairs
• Contributions to replacement reserves
• Taxes and insurance
Program Income—Rental Properties (cont’d)
• Program Income Does Not Include Revenue from Privately Owned Rental Projects
• Make Loans, not Grants, Wherever Possible
• Grantee Should Underwrite to Avoid Undue
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• Grantee Should Underwrite to Avoid Undue Enrichment
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Timeliness
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Timeliness of Use
• Use funds
– 50% of NSP2 funds expended in 2 years
– 100% of NSP2 funds expended in 3 years
• Understanding the starting point
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• Understanding the starting point
– Time starts when HUD signs grant agreement
• Based on grant amount only
• Same requirement for States and their subrecipients